You should be aware that your report must be serious and factual if it is to be accepted.
Your statement could have implications for those concerned by it.
Acceptance of the report will be based on the following points, in particular:
- do the facts reported go against the law and/or Lacoste’s ethical commitments?
- are the elements communicated serious and sufficiently supported?
- is the report made in good faith and without financial incentive?
- did the person submitting the report personally witness the events reported?
In compliance with applicable regulations, Lacoste has implemented a system to collect and process reports submitted by whistleblowers.
Lacoste, as the data controller, processes your personal data in order to manage its reporting system. The data collected is essential for this processing and is intended for relevant departments within Lacoste and, as the case may be, its subcontractors or service providers. The purpose, recipients, and conservation periods associated with the processing of the report are defined in Lacoste's procedure for collecting and addressing reports.
In accordance with current legislation, you have the following rights over your data: right of access, right to rectification, right to erasure, right to restrict processing, right to object, right to data portability, and the right to provide instructions on what is to become of your data after your death; these rights can be exercised by E-mail (dataprivacy@mf-brands.com) or by post (Service Juridique / Responsable Données Personnelles, 31-37 boulevard de Montmorency - 75016 Paris (France)). To ensure your requests are processed securely, Lacoste will ask you to prove your identity by any means. If a legitimate doubt remains regarding your identity, Lacoste may ask you to provide a copy of your identity card.